KULBHUSHAN MITTAL vs PRINCIPAL COMMISSIONER OF INCOME TAX

Whether the limitation period under section 263(2) for revision of a reassessment order starts from the original assessment order when the issues in revision are distinct from those in reassessment? --- Held: Yes, order quashed.

🔒 Direct Access Blocked

For your security and to prevent unauthorized automated access, individual judgment links cannot be opened directly. Please access this content via Google Search or the TaxPundit Search Portal.

AI Deep Dive
0/5 selected

Membership Required

Unlock official PDFs for all landmark cases.

JOIN NOW âž”
Shopping Cart